Condrey Information
Condrey Information
Condrey Information
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USA02015ROO386
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v.
CRIMINAL
NO.
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DAREN CONDREY,
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Defendant
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INFORMATION
COUNT ONE
The United States Attorney for the District of Maryland charges:
Introduction
At times material to this Information:
I,
The Foreign Corrupt Practices Act of 1977 ("FCPA"), as amended, Title 15, United
States Code, Sections 78dd-1, et seq " was enacted by Congress for the purpose of, among other
things, making it unlawful for certain classes of persons and entities to act corruptly in furtherance
of an offer, promise, authorization, or payment of money or anything of value, directly or
indirectly, to a foreign goverrunent official for the purpose of obtaining or retaining business for,
or directing business to, any person,
2.
services to nuclear power companies throughout the world on behalf of the goverrunent of the
Russian Federation.
TENEX was indirectly owned and controlled by, and performed functions
of, the government of the Russian Federation, and thus was an "agency" and "instrumentality" ofa
foreign government, as those terms are used in the FCPA, Title 15, United States Code, Section
78dd-2(h)(2).
3.
by, and performed functions of, the government of the Russian Federation, and thus was an
"agency" and "instrumentality" of a foreign government, as those terms are used in the FCPA,
Title 15, United States Code, Section 78dd-2(h)(2).
4.
TENEX from at least 2004 through in or about October 2010, and was the President of TEN AM
from in or about October 2010 through in or about October 2014.
"foreign official," as that term is used in the FCPA, Title 15, United States Code, Section
78dd-2(h)(2).
'Transportation
Maryland, and thus a "domestic concern," as that term is used in the FCPA, Title 15, United States
Code, Section 78dd-2(h)(l )(B).
logistical support services for the transportation of nuclear materials to customers in the United
States and to foreign customers.
6.
Transportation Corporation A from in or about August 1998 through in or about October 2014.
Defendant CONDREY was the co-President of Transportation Corporation A from in or about
January 2010 through in or about October 2014.
concern" and an officer, employee and agent of a "domestic concern," as that telm is used in the
FCPA, Title 15, United States Code, Section 78dd-2(h)(l).
The Conspiracy
8.
From in or about 2004 and continuing through in or about 2014, in the District of
11.
official capacity;
iv.
foreign goverrunent and agencies and instrumentalities thereof to affect and influence acts and
decisions of such government and agencies and instrumentalities, in order to assist defendant
CONDREY, Co-Conspirator One, and others in obtaining and retaining business for and with, and
directing business to, Transportation Corporation A and others, in violation of Title 15, United
States Code, Section 78dd-2; and
b.
to knowingly and with the intent to defraud, devise, and intend to devise a
scheme and artifice to defraud, and for obtaining money and propel1y by means of materially
false and fraudulent pretenses, representations, and promises, knowing that the pretenses,
representations, and promises were false and fraudulent when made, and did knowingly transmit
and cause to be transmitted, by means of wire communication in interstate commerce, writings,
signs, signals, pictures, and sounds for the purpose of executing such scheme and artifice in
violation of Title 18, United States Code, Section 1343.
Manner and Means of the Conspiracv
The manner and means by which defendant CONDREY and his co-conspirators sought
to accomplish the objects of the conspiracy included, among other things, the following:
9.
It was part of the conspiracy that defendant CONDREY and others discussed in
person, and through, among other means, electronic mail ("email"), making bribe paymenls to
Foreign Official One in order to obtain and retain business with TENEX.
10.
It was further part of the conspiracy that defendant CONDREY and others offered
to pay, promised to pay, and authorized bribe payments for the benefit of Foreign Official One in
exchange for Foreign Official One's agreements to help Transportation Corporation A secure
business with TENEX.
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II.
It was further part of the conspiracy that defendant CONDREY and others, with
It was further part of the conspiracy that defendant CONDREY and others, at the
direction of Foreign Official One, attempted to conceal the payments to Foreign Official One by
making the bribe payments to bank accounts in Cyprus, Latvia, and Switzerland.
13.
It was further part of the conspiracy that defendant CONDREY and others sent
email communications and used other forms of communication in which they used tenns like
"lucky figure," "LF," "cake," and "remuneration" as code words to conceal the true nature of the
bribe payments, and utilized fraudulent invoices which did not truthfully describe the services
provided or the purpose of the payments.
14.
It was further part of the conspiracy that defendant CONDREY and others caused
Transportation Corporation A to act as a conduit for a bribe payment another company made to
Foreign Official One in order to conceal that bribe payment.
15.
It was further part of the conspiracy that defendant CONDREY and others wired,
and caused to be wired, payments from Transportation Corporation A's bank account in Maryland
to bank accounts in Cyprus, Latvia, and Switzerland for the purpose of making bribe payments to
Foreign Official One.
Overt Acts
16.
In furtherance of the conspiracy, and to achieve the objects thereof, at least one of
the conspirators committed, and caused to be committed, in the District of Maryland and
elsewhere, at least one of the following overt acts, among others:
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a.
Foreign Official One stating "[ ... ] 1met with [Transportation Corporation A] principals last
week and confirmed the cake process on a quarterly basis - all is well."
b.
received from Foreign Official One inquiring "[p]lease advise when QI 'LF' can be done [... ],"
defendant CONDREY sent an email to Foreign Official One stating "[i]fwe receive payment
[from Transportation Corporation A] by April 26 (when due) then we may be able to arrange full
amount by end of April."
c.
Foreign Official One attaching a spreadsheet that showed the value of certain bribes defendant
CONDREY and others had promised to Foreign Official One as a percentage ofthe money
Transportation Corporation A received, and would receive, from TENEX.
d.
Transportation Corporation A to make a wire transfer payment in the amount 01'$25,774 from
Transportation Corporation A's bank account in Maryland to a bank account in Zurich,
Switzerland at the direction of, and for the benefit of, Foreign Official One.
e.
Official One attaching the details of the $25,774 payment that Transportation Corporation A
made to a bank account in Zurich, Switzerland at the direction of, and for the benefit of, Foreign
Official One.
f.
Transportation Corporation A to make a wire transfer payment in the amount of $77,896 from
Transportation Corporation A's bank account in Maryland to a bank account in Zurich,
Switzerland at the direction of, and for the benefit of, Foreign Official One.
g.
Foreign Official One with the subject "LF" attaching the details of the $77,896 payment that
Transportation Corporation A made to a bank account in Zurich, Switzerland at the direction of,
and for the benefit of, Foreign Official One.
18 U.S.C.
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